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I elsewhere in the State of California. <br /> 2 3. Defendant, with actual or constructive knowledge of this Injunction, only in so far as they <br /> 3 are doing business in the State of California, in the course of Defendant's TIRE DEALER activities, <br /> 4 are pursuant to Health and Safety Code section 25181 hereby permanently enjoined from: <br /> 5 a. Transporting or causing the transportation of hazardous waste at an unauthorized <br /> 6 point, in violation of Health and Safety Code section 25189.5(c); <br /> 7 b. Disposing or causing the disposal of hazardous waste at an unauthorized point, in <br /> 8 violation of Health and Safety Code section 25189.5(a); <br /> 9 c. Storing or causing the storage of hazardous waste at a facility without a hazardous <br /> 10 waste facilities permit, in violation of Health and Safety Code section 25201(a); <br /> 11 d. Managing hazardous waste without an EPA identification number, in violation of <br /> 12 California Code of Regulations, title 22 section 66262.12(a); <br /> 13 e. Failing to maintain and operate the facility to minimize the possibility of an <br /> 14 unplanned sudden or non-sudden release of hazardous waste, in violation of California Code of <br /> 15 Regulations, title-22 section 66265.31; <br /> 16 f. Failing to equip the facility with spill control or decontamination equipment for the <br /> 17 cleanup of hazardous waste spills,in violation of California Code of Regulations, title 22 section <br /> 18 66265.32(c); <br /> 19 g. Failing to comply with the requirements of managing and recycling used oil filters, <br /> 20 in violation of California Code of Regulations,title 22 section 66266.130. <br /> 21 4. Defendant with actual or constructive knowledge of this Injunction, only in so far as they <br /> 22 are doing business in the State of California, in the course of Defendant's TIRE DEALER activities, <br /> 23 are pursuant to Health and Safety Code section 25299.01 are hereby permanently enjoined from: <br /> 24 a. Abandoning, closing or temporarily ceasing to operate an underground storage tank <br /> 25 without required notification to the local agency, in violation of Health and Safety Code section <br /> 26 25298(a). <br /> 27 5. Defendant with actual or constructive knowledge of this Injunction, only in so far as they <br /> 28 are doing business in the State of California, in the course of Defendant's TIRE DEALER activities, <br /> 2 <br /> PERMANENT INJUNCTION AND FINAL JUDGMENT PURSUANT TO STIPULATION <br />